Categories
Corruption, Crime and Compliance

Episode 237 – The Tenaris SEC FCPA Settlement


The SEC announced another FCPA settlement in 2022. FCPA enforcement, in general, is picking up. Tenaris, a global supplier of steel pipes and related services for the energy industry, agreed to pay the SEC $78 million to resolve FCPA violations in Brazil. The US Department of Justice closed its investigation without bringing charges. In this episode, Michael Volkov reviews the SEC settlement.

Categories
Greetings and Felicitations

Ulysses at 100-Lessons for the 21st Century Compliance Professional – Bloomsday and Storytelling


Matt Kelly once challenged me to write a blog post for Bloomsday. Well aware of my great love for Joyce’s magnum opus, I accepted the challenge. This year is the 100th anniversary of the publication of the book. To celebrate this event, James Joyce’s novel at 100 and the compliance profession, I have decided to do a 5-part podcast series on Ulysses. Over this podcast series, I will highlight some of the books and commentary and tie what Joyce, Dublin, Leopold Bloom and his wife Molly, together with his mentor Stephen Daedalus, can teach the modern compliance professional. I hope you will join me in the short celebration and trip through Dublin 1904 for the 100th anniversary of Bloomsday. In Part 5, Bloomsday and storytelling.
 Resources
The Teaching Compliance-James Joyce Ulysses, by James Heffernan
The Politicians Who Love Ulysses by Kevin Dettmar
“Ulysses” and the Moral Right to Pleasure by Dan Chiasson in the New Yorker
The Moral of Ulysses by Charles Cosby
Ethics and the Modernist Subject in James Joyce’s “Ulysses,” Virginia Woolf’s “The Waves,” and Djuna Barnes’s “Nightwood” by AnnKatrin Jonsson
The Ethical Reader in Ulysses by Stephen Gilbert

Categories
Innovation in Compliance

Compliance Insights from Traliant: Episode 5 – Scott Schneider Spotlight on Anti-Corruption Training


Welcome to a special five-part podcast series on compliance insights, sponsored by Traliant. Over this series, we will discuss the key issues that Traliant is helping to lead and define the online training industry going forward. Over this five-part series, I will visit with  John Arendes, Chief Executive Officer (CEO) at the company, on what is new at New Traliant and what the Department of Justice (DOJ) has communicated to the compliance community regarding its expectations around online training and communications; Maggie Smith, Vice President of Human Resources at Traliant on the role of DEI in your corporate ESG program; and Scott Schneider, Head of Content Development at Traliant on your Code of Conduct and anti-corruption training. In this concluding Episode 5, I visit with Scott Schneider, VP of Innovation at Traliant, on the evolution of anti-bribery/anti-corruption training.

  • Why is bribery and corruption a tricky subject to train on?
  • When is training effective?
  • Assuming the movers are aligned, what makes bribery training effective?
  • The importance of practical advice.

Resources
Traliant Website
Scott Schneider on LinkedIn

Categories
Presidential Leadership Lessons for the Business Executive

Presidential Leadership Lessons from Woodrow Wilson, Part 2-the Presidential Years and Beyond


Richard Lummis and Tom Fox conclude a two-part series on leadership lessons from Woodrow Wilson. In this Part 2, we look at lessons from Wilson’s two terms as President, his illness and short post-Presidential life and early death. Highlights of this podcast include:
A.    New Freedom Agenda
1.     Tariff and Tax
2.     Federal Reserve
3.     Anti-Trust Legislation
4.     Labor and Agriculture
5.     Immigration (here we go again)
6.     Judicial Appointments
B.    Race relations and Wilson’s attempts at Segregation
C.     Foreign Policy-how did he “keep us out of war”

  1. Re-Election in 1916
  2. Move towards and declaration of War
  3. Miscalculation by Germany and Wilson Response
  4. 14 Points
  5. The Peace Conference
  6. Ratification debate and Incapacity
  7. Death
  8. Leadership lessons

Resources
Ten Ways to Judge a President
Woodrow Wilson Quotes
Woodrow Wilson-a Failure in Leadership
How Woodrow Wilson Lost the Peace
Woodrow Wilson-Life Before the Presidency
13 Leadership Lessons from WWI

Categories
A Yank at Oxford

Getting Tough at Oxford


Tune in every quarter to learn how David Simon, a 53-year-old lawyer from the US, navigates the ancient world of Oxford University in pursuit of an MBA. David is a Partner at the white shoe law firm Foley and Lardner, who has dedicated his career to white collar compliance with a heavy international focus. “My practice touches a lot on some of the sanctions and international trade issues that typically come up on international matters,” he says. In A Yank in Oxford, David and host Tom Fox will talk about what inspired his decision to pursue an Executive MBA, and his hopes for where the journey may lead.
In this Episode 4, David discusses beginning his academic journey through his third quarter in the Oxford MBA program. Highlights include:
1.           You are now about 9 months into your EMBA program. How is it going?
 2.           Working with your classmates. Are you finding interesting collaboration opportunities?
 a.         working with a classmate on a proposal to the State Department for an anti-corruption project in sub-Saharan Africa;
b.         some nascent legal tech projects involving AI; and
c.         required Entrepreneurship Project.
3.          What substantive stuff what you been learning.
 a.      Global Rules of the Game.
b.     Strategy Class.
c.     Accounting.
d.     Technology and Operations Management.
4.           Fun stuff – matriculation 
The Ceremony was in the Divinity School, one of the oldest university buildings. Very formal – Latin incantations and subfusc? As Oxford as it gets.

Categories
Daily Compliance News

June 17, 2022 the We Did Nothing Wrong Edition


In today’s edition of Daily Compliance News:

  • More comments on CCO certification. (WSJ)
  • Guilty plea in Danske Bank money-laundering. (US News and World Reports)
  • Swiss Prosecutor finds $60MM in Credit Suisse AML payment. (BNN Bloomberg)
  • Activision investigates itself and finds senior management did nothing wrong. (WSJ)
Categories
Blog

Compliance Insights from Traliant: Scott Schneider, Spotlight on Anti-Corruption Training

Welcome to a special five-part blog post series on the New Traliant, sponsored by Traliant, LLC. Over this series, we have discussed what is new at the company and key issues that Traliant is helping to lead and define the online training industry in going forward. I have visited with John Arendes, Chief Executive Officer (CEO), on what is new at Traliant and what the Department of Justice (DOJ) has communicated to the compliance community regarding its expectations around online training and communications; Maggie Smith, Vice President of Human Resources, on the role of diversity, equity and inclusion (DEI) in your corporate environmental, social and governance (ESG) program; and Scott Schneider, Head of Content Development, on your Code of Conduct and anti-corruption training. In this concluding Part 5, I visit with Scott Schneider on the evolution anti-bribery/anti-corruption training.
Schneider identified three key components of a successful anti-bribery/anti-corruption training program. First is the management leadership perspective which is essentially about goals and incentives. This area would include such issues as the compensation structure, goal setting and promotion criteria. Second is the culture issue, which is moving from a “win at all cost culture” to a “we do the right thing culture.” Finally, is the training itself where you need to provide employees both the information and guidance, they need to forestall any bribery and corruption. Schneider emphasized that for training to be effective, “those first two movers; management and culture are very powerful. If you have all three movers pushing the same direction, training can be very impactful because it gives people information and guidance that they can use.” However, Schneider cautioned, “If you’ve got the first two pulling against, then training will typically not be effective and indeed could move the category of background noise.”
We turned to the issue of ‘effective’ training as laid out in the 2019 and 2020 Update to the Evaluation of Corporate Compliance Programs. Schneider believes the issue of effectiveness largely turns on the context of a corporate compliance program and corporate culture. He believes “training should shift the perspective, the point of view to the learner. It is not simply not giving cash but items readily transferable into cash, such as gift cards.” Another example he provided was what to do when your product is stuck on a dock? “Is it okay to slip someone 20 bucks? Or who do I talk to in our organization? You have to candidly have a conversation and say we know these are hard issues. We want to help you make the right decision. We want to make sure that we’re supporting the decisions that you’re making.”
We next turned to targeted training. Here the key is risk management. Schneider said, “You have to know your organization and how it does business, then spend some time, effort and resources figuring out where the weak points are.” From there you can assess your risk and train those who are at higher risk and those who are gatekeepers. One example might be “an Accounts Payable (AP) clerk working in SAP. They might be able to see if due diligence was done and approved on a third-party agent or that a contract authorizing payment is in place if it is attached in the SAP module. That could be one control you would have as a backstop, but you would need to train the AP clerk on what to look for in their duties.”
This ties back into your overall risk management framework. During your risk assessment(s) you can see which employees, geographic areas or business operations might be at high risk. From there you can provide the basic anti-corruption training and then move to more targeted training, which can also have another set of characteristics as advocated by the DOJ in the 2020 Update to the Evaluation of Corporate Compliance Programs. Once again Schneider believes everyone should get the basics to “level the playing field.” From there you can move to shorter training and communication pieces, which can be sent via email. This is the lesson from the 2013 Morgan Stanley declination, that short effective training and communications sent by email will be viewed favorably by the DOJ.
But Schneider said that other types of training and communications can be used. He pointed to  the example of the “lunch n’ learn.”  It could be something like your middle managers taking 10 minutes to talk about the importance of anti-corruption to their direct reports. Schneider noted that all employees who attend such meetings come with a basic understanding of the issues but that “helping people get the bigger picture and then reminding people of that picture is important.” He ended by noting, however, that it all ties back to those three concepts he started with aligning incentives with culture and then reinforcing through training.